2008•Unpublished venueRequires access

Tax Treaty Legislation in the 110th Congress: Explanation and Economic Analysis

Donald J. Marples

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Abstract

This report discusses the proposals that are designed to curb “treaty shopping” — instances where a foreign parent firm in one country receives its U.S.-source income through an intermediate subsidiary in a third country that is signatory to a tax-reducing treaty with the United States.

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What this paper is about

This report discusses the proposals that are designed to curb “treaty shopping” — instances where a foreign parent firm in one country receives its U.S.-source income through an intermediate subsidiary in a third country that is signatory to a tax-reducing treaty with the United States.

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Available abstract

This report discusses the proposals that are designed to curb “treaty shopping” — instances where a foreign parent firm in one country receives its U.S.-source income through an intermediate subsidiary in a third country that is signatory to a tax-reducing treaty with the United States.

Key concepts: Treaty, Legislation, Tax treaty, International trade, Political science, Law, Business, International economics

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